New Markets Tax Credits and Housing. Common Misunderstandings About New Markets Tax Credits...

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Transcript of New Markets Tax Credits and Housing. Common Misunderstandings About New Markets Tax Credits...

New Markets Tax Credits and New Markets Tax Credits and HousingHousing

Common Misunderstandings About New Markets Tax Credits

• Commercial real estate development is the best use of NMTCs.

• NMTCs cannot be used to finance multifamily housing.

• NMTCs and LIHTCs are mutually exclusive tax credits.

• Using NMTCs in for-sale housing projects is a prescription for recapture.

Questions to Consider

• Does the business the CDE will be lending to or investing in qualify as a QALICB?– Restrictions on residential rental property.

• What are the statutory or regulatory prohibitions regarding low-income housing?– Restrictions on use with LIHTCs.

• What concerns are there about NMTC compliance?– Reinvestment risk.

Four Common Ways toFinance Housing with NMTCs

1) “Mixed-use” developments – 20% or more commercial revenue

– Potentially in combination with LIHTC

2) Developers of residential rental property (including LIHTC)

3) For-sale housing

4) In combination with other subsidies– Historic Tax Credits

– Other “soft” financing

(1) “Mixed-Use” Developments

• QALICBs must be engaged in the active conduct of a qualified business.

• Rental of real estate qualifies only if the property is not depreciable as residential real estate and there are substantial improvements on the property.

• Residential real estate is defined in section 168(e)(2)(A) of the Code as “any building or structure if 80 percent or more of the gross rental income from such building or structure is rental income from dwelling units.”

“Mixed-Use” (cont’d)

• Mixed-Use must have less than 80% of income from rental housing plus 20% or more of income from:– Office space

– Retail

– Other commercial space

Can Mixed Use Projects Combine NMTCs and LIHTCs?

• Generally speaking, not allowed– CDE’s loan/investment will not be a

QLICI to the extent it finances building’s eligible basis under Section 42(d)

• Solutions– Use condominium structure

– Finance non eligible basis items

Condo Structure: NMTCs and LIHTCs

NMTC Investor

CDE LIHTC Investor

Partnership One Partnership Two

Mixed Use Building

Owns Residential Condominium

Owns Commercial

Condominium

Loan or Equity

NMTCs and LIHTC: Eligible Basis

• NMTCs cannot finance eligible basis items

• Can finance– Land

– Infrastructure/sitework

– Commercial portion of building

• Importance of tracing funds, no cross-collateralizing, no cross-defaults

Multiple Buildings and “Part of a Business” Rule

• CDE may treat any trade or business (or portion thereof) as a QALICB if it would meet the QALICB requirements if separately incorporated – Must maintain separate books and records.

– Typical example – grocery store

• Multiple buildings, commercial and residential

(2) NMTCs Financing Housing Developers

• Developers of housing may qualify as QALICBs• Must ensure all QALICB tests are met, including:

– Tangible property test

– Gross income test

– Employee Test

• Beware of developers who own the property• Reinvestment risk

(3) NMTCs and For-Sale Housing

• QALICBs can include developers of for-sale housing

• No requirements for low-income residents

• Concerns include reinvestment risk

• Better suited for phased projects where sales proceeds can berecycled into subsequent phase of development.

(4) Sources of FinancingHTCs as Other Subsidy

• NMTCs can be paired with HTCs

• Other housing sources as leverage– CDBG

– HUD 108

– Tax-exempt bonds

– Tax Increment Financing

Other Possibilities

• Live/Work space– NMTCs finance commercial portion of apartment

More Information?

Herbert F. Stevens, Esq.401 9th Street, NW

Suite 900Washington, DC 20004

202.585.8811hstevens@nixonpeabody.com